Barons Creek Vineyards LLC v. Gillespie Central Appraisal District
Court
Court of Appeals of Texas
Decided
July 31, 2025
Jurisdiction
SA
Importance
44%
Practice Areas
Case Summary
COURT OF APPEALS EIGHTH DISTRICT OF TEXAS EL PASO, TEXAS § BARONS CREEK VINEYARDS LLC, No. 08-25-00123-CV § Appellant, Appeal from the § v. 216th District Court § GILLESPIE CENTRAL APPRAISAL of Gillespie County, Texas DISTRICT, § (TC# 23-17546) Appellee. § § M E M O RAN D U M O PI N I O N Appellant Barons Creek Vineyards LLC’s (Barons Creek) brief was due on June 29, 2025. See Tex. R. App. P. 38.6(a) (governing time to file briefs). On July 15, 2025, the Clerk of this Court notified Barrons Creek that this appeal would be dismissed for want of prosecution if no motion for extension of time or brief accompanied by a motion for extension of time was received by July 25, 2025. See Tex. R. App. P. 10.5(b) (governing motions), 38.8(a)(1) (authorizing dismissal for want of prosecution in a civil appeal if an appellant fails to timely file a brief); 42.3(b) (authorizing involuntary dismissal for want of prosecution). To date, we have received no response. We dismiss the appeal for want of prosecution. Tex. R. App. P. 42.3(b), 43.2(f). MARIA SALAS MENDOZA, Chief Justice July 31, 2025 Before Salas Mendoza, C.J., Palafox and Soto, JJ. 2
Case Details
Case Details
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Status
Decided
Date Decided
July 31, 2025
Jurisdiction
SA
Court Type
federal
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Case Overview
Case Name: Barons Creek Vineyards LLC v. Gillespie Central Appraisal District
Court: Court of Appeals of Texas
Citation: No. 08-25-00123-CV
Date: July 31, 2025
Jurisdiction: San Antonio (SA)
This case involves an appeal by Barons Creek Vineyards LLC against the Gillespie Central Appraisal District. The appeal was dismissed due to the appellant's failure to file a timely brief, leading to a decision based on procedural grounds rather than substantive legal issues.
Key Legal Issues
- Failure to Prosecute: The primary legal issue is the appellant's failure to file a brief by the deadline set by the court.
- Dismissal for Want of Prosecution: The court's authority to dismiss appeals when procedural rules are not followed.
Court's Decision
The Court of Appeals of Texas dismissed the appeal for want of prosecution, citing the appellant's failure to comply with the rules governing the timely filing of briefs. The court emphasized the importance of adhering to procedural timelines in appellate practice.
Legal Reasoning
The court's decision was grounded in the following legal principles:
- Texas Rules of Appellate Procedure: The court referenced Tex. R. App. P. 38.6(a), which governs the time for filing briefs, and Tex. R. App. P. 42.3(b), which allows for dismissal for want of prosecution.
- Notification and Response: The court noted that Barons Creek was notified of the impending dismissal and was given an opportunity to respond, but failed to do so.
Key Holdings
- The appeal was dismissed due to the appellant's failure to file a brief by the required deadline.
- The court affirmed its authority to dismiss cases for want of prosecution when procedural rules are not followed.
- The dismissal was made without prejudice, meaning Barons Creek may have the option to refile if circumstances allow.
Precedents and Citations
- Tex. R. App. P. 38.6(a) - Governing time to file briefs.
- Tex. R. App. P. 42.3(b) - Authorizing involuntary dismissal for want of prosecution.
- Tex. R. App. P. 10.5(b) - Governing motions for extensions of time.
Practical Implications
This case underscores the critical importance of adhering to procedural rules in appellate litigation. Legal practitioners should take note of the following implications:
- Timeliness is Crucial: Appellants must ensure that all filings are made within the specified deadlines to avoid dismissal.
- Understanding Procedural Rules: Familiarity with the Texas Rules of Appellate Procedure is essential for effective advocacy in appellate courts.
- Potential for Refiling: While the dismissal was for want of prosecution, the possibility of refiling may exist, depending on the circumstances surrounding the case.
In conclusion, the Barons Creek Vineyards LLC v. Gillespie Central Appraisal District case serves as a reminder of the stringent adherence required to procedural timelines in Texas appellate courts, highlighting the consequences of neglecting such obligations.
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Case Details
Legal case information
Status
Decided
Date Decided
July 31, 2025
Jurisdiction
SA
Court Type
federal
Legal Significance
Case importance metrics
Metadata
Additional information
Quick Actions
Case management tools